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2010 (7) TMI 388 - AT - Central ExciseCenvat credit Inputs for capital goods - denial of credit on the steel plates, angles and channels, which were used for the repairs, upkeep and maintenance of machines, machinery equipment and structural, and denial of credit on clean flo and chemicals which were used in the cooling tower attachment to the DG sets for treatment of water and for prevention of formation of algae - items are used for maintenance or for fabrication of the structures no justification for remanding the matter to the original authority - denial of credit on steel items alongwith interest is upheld - Demand of duty relating to the denial of credit on clean flo and chemicals amounting set aside - penalty sustained by Commissioner (Appeals) is set aside
Issues:
- Eligibility of Cenvat credit on steel plates, angles, and channels used for repairs and maintenance. - Eligibility of Cenvat credit on clean flo and chemicals used in cooling tower attachment. - Interpretation of the decision of Larger Bench of Tribunal in Vandana Global case. - Application of the decision of Hon'ble High Court of Punjab and Haryana in CCE v. JCT Ltd. - Nexus between inputs and final products for Cenvat credit eligibility. - Clarificatory amendment to Explanation 2 of Rule 2(k) of Cenvat Credit Rules, 2004. Eligibility of Cenvat Credit on Steel Items: The appeal concerned the denial of Cenvat credit on steel plates, angles, and channels used for repairs and maintenance. The appellants claimed the credit based on their use for fabrication of various structures. The Tribunal considered the applicability of the decision in the Vandana Global case and the nexus between inputs and final products. The Tribunal upheld the denial of credit, citing the need for a clear link between inputs and final products, as established in previous judgments. The claim for credit on steel items was rejected based on the findings that these items were used for maintenance or fabrication of structures, not for direct production processes. Eligibility of Cenvat Credit on Clean Flo and Chemicals: The dispute also involved the denial of Cenvat credit on clean flo and chemicals used in the cooling tower attachment. The appellants argued for the credit, relying on a decision of the Hon'ble High Court of Punjab and Haryana. The Tribunal set aside the demand for credit on clean flo and chemicals, aligning with the decision cited by the appellants. The eligibility of credit on these items was determined in favor of the assessee based on the precedent set by the Hon'ble High Court. Interpretation of Vandana Global Case and Nexus Requirement: The Tribunal extensively analyzed the decision of the Larger Bench in the Vandana Global case, which addressed questions regarding the definition of "capital goods" and the eligibility of credit on certain items. The Tribunal emphasized the need for a clear nexus between inputs and final products for Cenvat credit eligibility. It highlighted that goods like cement and steel items used for laying foundation or building supporting structures do not qualify as inputs for capital goods. The Tribunal clarified that the definition of capital goods must align with the manufacturing process and the nexus between inputs and final products. Clarificatory Amendment and Disposition of the Appeal: The Tribunal noted the clarificatory amendment to Explanation 2 of Rule 2(k) of the Cenvat Credit Rules, 2004, stating its retrospective applicability. In the final disposition, the Tribunal upheld the demand for credit on steel items, set aside the demand for credit on clean flo and chemicals, and annulled the penalty imposed by the Commissioner (Appeals). The appeal was resolved with a clear decision on each aspect, guided by the interpretations of relevant legal precedents and the requirements for Cenvat credit eligibility.
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